MEMORANDUM OPINION
SWEET, District Judge.
The United States of America (the "Government") has moved pursuant to Rule 56, Fed.R.Civ.P., for summary judgment on its complaint seeking to reduce to judgment three outstanding tax assessments against the defendant Albert Goldstein ("Goldstein") for the tax years 1977, 1980, and 1981. For the reasons set forth below, the motion is granted.
There is no dispute of a material fact, the Government having...
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